Yes! You can use AI to fill out Fidelity Advisor 403(b) Distribution Request Form
The Fidelity Advisor 403(b) Distribution Request Form is an official Fidelity Investments document used by 403(b) retirement plan participants to request distributions from their accounts, whether through direct rollover to an IRA or another plan, partial or full withdrawal, or periodic installment payments. The form requires authorization from the Employer, Plan Sponsor, or Third Party Administrator (TPA), and includes important tax withholding elections and rollover option disclosures. It is a critical document for managing retirement assets and ensuring compliance with IRS regulations governing 403(b) plan distributions. Today, this form can be filled out quickly and accurately using AI-powered services like Instafill.ai, which can also convert non-fillable PDF versions into interactive fillable forms.
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Form specifications
| Form name: | Fidelity Advisor 403(b) Distribution Request Form |
| Number of pages: | 1 |
| Filled form examples: | Form Fidelity Advisor 403(b) Distribution Request Examples |
| Language: | English |
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How to Fill Out Fidelity Advisor 403(b) Distribution Request Online for Free in 2026
Are you looking to fill out a FIDELITY ADVISOR 403(B) DISTRIBUTION REQUEST form online quickly and accurately? Instafill.ai offers the #1 AI-powered PDF filling software of 2026, allowing you to complete your FIDELITY ADVISOR 403(B) DISTRIBUTION REQUEST form in just 37 seconds or less.
Follow these steps to fill out your FIDELITY ADVISOR 403(B) DISTRIBUTION REQUEST form online using Instafill.ai:
- 1 Navigate to Instafill.ai and upload the Fidelity Advisor 403(b) Distribution Request Form PDF or select it from the available form library.
- 2 Complete Section 1 (Account Information) by entering your full name, date of birth, address, telephone numbers, Social Security Number, and date of hire.
- 3 Fill in Section 2 (Employer Information) with your employer's name, telephone number, and address, and Section 3 (Financial Advisor Information) with your advisor's firm name, contact details, and fax number.
- 4 Select your reason for distribution in Section 4 (e.g., attainment of age 59½, separation from service, or disability) and choose your preferred distribution method(s) in Section 5, specifying rollover details, withdrawal amounts, fund sources, and payment delivery preferences.
- 5 Complete Section 6 (Notice of Withholding) by making your federal and state income tax withholding elections as applicable to your distribution type.
- 6 Have your Employer, Plan Sponsor, or TPA complete and sign Section 7 (Employer/Plan Sponsor or TPA Approval) to authorize the distribution request.
- 7 Review all entered information for accuracy, sign and date Section 8 (Your Signature), obtain a signature guarantee if required, and submit the completed form to Fidelity Investments Institutional Operations Company (FIIOC) by mail or overnight delivery.
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Frequently Asked Questions About Form Fidelity Advisor 403(b) Distribution Request
This form is used to request a distribution from your Fidelity Advisor 403(b) retirement account. It allows you to choose from four distribution methods: Direct Rollover, Partial Withdrawal, Full Withdrawal, or Periodic Installment Payments.
Your Employer/Plan Sponsor or Third Party Administrator (TPA) must authorize the distribution request by signing Section 7, except when the reason for distribution is attainment of age 59½, in which case their signature is not required.
You may request a distribution for three reasons: (A) attainment of age 59½, (B) separation from service or severance from employment, or (C) disability. Note that this form cannot be used for hardship withdrawals — a separate Fidelity Advisor 403(b) Financial Hardship Distribution Form must be used for that purpose.
You can choose from four methods or a combination of them: Direct Rollover (to a Fidelity Advisor IRA, another custodian/trustee, or an existing 403(b) at Fidelity), Partial Withdrawal, Full Withdrawal, or a Systematic Withdrawal Plan with periodic installment payments (monthly, quarterly, or yearly).
A signature guarantee is required if: (1) the distribution amount is $100,000 or more, (2) the distribution is not sent to your address of record, or (3) your address has changed within the last 15 days. A signature guarantee can be obtained from a bank, broker, credit union, or other authorized institution — a notary public cannot provide one.
If you do not roll over an eligible rollover distribution, it is subject to mandatory 20% federal income tax withholding. If you are under age 59½, an additional 10% early withdrawal penalty tax may also apply unless an exception is met. You should review the attached Special Tax Notice Regarding Your Rollover Options for full details.
Yes, you can roll over pretax funds to a Roth IRA, but the taxable amount rolled over will be treated as taxable income in the year of the rollover. The 10% early withdrawal penalty will not apply unless you withdraw the rolled-over amount from the Roth IRA within 5 years of the rollover.
For regular mail, send the completed form to: Fidelity Investments Institutional Operations Company, Inc. (FIIOC), P.O. Box 770002, Cincinnati, OH 45277-0090. For overnight delivery, send to: 100 Crosby Parkway, KC1E, Covington, KY 41015.
You will need your full name, date of birth, address, Social Security Number, date of hire, work and home telephone numbers, employer information, and financial advisor details. You will also need to specify the reason for distribution, the distribution method, fund names and amounts, and your withholding elections.
Yes, AI-powered services like Instafill.ai can help you accurately auto-fill this form, saving time and reducing errors. Instafill.ai guides you through each field and ensures all required information is entered correctly before submission.
You can upload the Fidelity Advisor 403(b) Distribution Request Form PDF to Instafill.ai, and the AI will help you fill in all required fields — including personal information, employer details, distribution method, and withholding elections — quickly and accurately online, without needing to print and handwrite the form.
If you have a flat, non-fillable PDF version of this form, Instafill.ai can convert it into an interactive fillable form, allowing you to type directly into the fields, complete it digitally, and print or save the finished document.
The Systematic Withdrawal Plan allows you to receive periodic payments either by a Specific Dollar Method (a fixed dollar amount each period) or a Specific Period Method (payments calculated based on your account balance spread over a set number of years). Payments must be made at least once annually and can be deposited into a Fidelity non-retirement account, sent by check, or transferred via Electronic Funds Transfer (EFT).
You can only elect out of withholding if your distribution is not an eligible rollover distribution (e.g., periodic payments or required minimum distributions). Eligible rollover distributions are subject to mandatory 20% federal withholding and cannot be waived. Nonresident aliens should not complete the withholding election section and may be subject to 30% withholding.
You can call your Financial Advisor or Fidelity directly at 877-895-5951, Monday through Friday, 8 a.m. to 5 p.m. Eastern time, on any day the New York Stock Exchange is open. You can also consult a professional tax advisor for guidance on tax implications of your distribution.
Compliance Fidelity Advisor 403(b) Distribution Request
Validation Checks by Instafill.ai
1
Social Security Number Format and Completeness Validation
Validates that the Party_SSN field is fully populated and follows the standard XXX-XX-XXXX format with exactly 9 numeric digits. This is critical because the SSN is used to identify the account owner and certify tax reporting accuracy under penalties of perjury as stated in Section 8. If the SSN is missing, incorrectly formatted, or contains non-numeric characters, the distribution cannot be processed and tax reporting obligations cannot be fulfilled.
2
Date of Birth Format and Age Eligibility Check
Validates that Party_DOB is present, follows the mm-dd-yyyy format, and represents a plausible date (not in the future, not implying an age over 120). Additionally, if the distribution reason selected in Party_Reason is 'Attainment of age 59½' (Option A), the system must cross-reference the date of birth against the current date to confirm the participant is actually at least 59½ years old. If the age does not meet the threshold for the selected reason, the distribution request is invalid and may trigger unnecessary tax penalties.
3
Distribution Reason Selection Completeness
Validates that exactly one distribution reason has been selected in the Party_Reason field from the three available options: (A) Attainment of age 59½, (B) Separation from service, or (C) Disability. A distribution reason is required to determine eligibility, tax treatment, and whether Employer/Plan Sponsor or TPA authorization is required. If no reason is selected or multiple reasons are checked, the form cannot be processed and the appropriate authorization requirements cannot be determined.
4
Employer/TPA Authorization Requirement Based on Distribution Reason
Validates that if the distribution reason selected is B (Separation from Service) or C (Disability), the Employer/Plan Sponsor or TPA signature fields in Section 7 are completed, including the printed name, signature, and date. Per the form instructions, only Option A (age 59½) does not require employer authorization. If reasons B or C are selected but Section 7 is left blank, the distribution request is incomplete and cannot be authorized for processing.
5
Date of Hire Format and Logical Consistency with Date of Birth
Validates that Employer_HireDate is present, follows the mm-dd-yyyy format, and is logically consistent with the participant's date of birth — specifically, the hire date must be after the date of birth and must imply the participant was at least 14–16 years old at time of hire. An invalid or illogical hire date could indicate a data entry error that may affect eligibility determinations for separation-from-service distributions. If the hire date precedes the date of birth or is in the future, the form should be flagged for correction.
6
Distribution Method Selection Completeness
Validates that at least one distribution method has been selected among the four options: Direct Rollover (Option 1), Partial Withdrawal (Option 2), Full Withdrawal (Option 3), or Systematic Withdrawal Plan (Option 4), as indicated by the relevant Party_DRollover, Party_IndicatePayment, Party_FullWith, and Party_SWP fields. Without a selected distribution method, there is no actionable instruction for Fidelity to process the request. If no method is selected, the form is incomplete and must be returned to the participant.
7
Direct Rollover Sub-Option and Receiving Account Validation
Validates that when Option 1 (Direct Rollover) is selected via Party_DRollover, exactly one sub-option (A, B, or C) is chosen, and that the corresponding required fields are populated: IRA account number (Party_RolloveracctNo) for sub-option A, custodian/trustee name (Party_NewCustodianName) and account type for sub-option B, or receiving 403(b) plan name (Party_403bPlan) for sub-option C. Missing rollover destination information would result in the check being issued without a valid payee or receiving institution, causing processing delays or misdirected funds.
8
Partial Withdrawal Amount or Percentage Specification
Validates that when Option 2 (Partial Withdrawal) is selected, at least one fund entry includes either a dollar amount (Party_PartialAmt1 or Party_PartialAmt2) or a 100% designation, and that the specified source type (Pretax, Roth, or After-Tax) is selected for each fund line used. Dollar amounts must be numeric and greater than zero. Without a valid amount or percentage, Fidelity cannot determine how much to withdraw, and the distribution cannot be processed correctly.
9
Systematic Withdrawal Plan (SWP) Payment Amount and Frequency Validation
Validates that when Option 4 (Systematic Withdrawal Plan) is selected, a payment frequency (Monthly, Quarterly, or Yearly) is chosen via Party_SWPFrequency, a valid dollar amount is entered in Party_SWPAmt (for Specific Dollar Method) or a number of years is specified (for Specific Period Method), and a valid start date is provided in Party_SPWBeginDate following the mm-dd-yyyy format. The form requires payments to be processed at least once annually, so a frequency selection is mandatory. Missing or invalid entries would prevent the systematic payment schedule from being established.
10
SWP Start Date Format and Future Date Validation
Validates that the SWP start date fields (Party_SPWBeginDate and Party_SPWSpeciBeginDate) are in mm-dd-yyyy format and represent a future date relative to the submission date. A start date in the past would be logically invalid for initiating a new payment schedule and could cause processing errors or missed payment cycles. If the date is malformed or historical, the form should be flagged and returned for correction before the SWP can be established.
11
Payment Delivery Method Selection for Withdrawals
Validates that for Options 2, 3, and 4, a payment delivery method is selected — either deposit into a Fidelity Advisor Non-Retirement Account (with a valid account number in Party_PartAdvAcctNumber, Party_FullAdvAcctNumber, or Party_SWPFidAcctNumber) or by check. If the deposit-to-account option is chosen, the account number field must be non-empty and in a valid format. Without a valid delivery method and destination, Fidelity cannot disburse the funds and the distribution will be held pending clarification.
12
Signature Guarantee Requirement Based on Distribution Amount and Address
Validates whether a Signature Guarantee Stamp is required based on three conditions: (1) the distribution amount is $100,000 or more, (2) the distribution is not being sent to the address of record, or (3) the participant's address has changed within the last 15 days. If any of these conditions are met and the signature guarantee section is not completed, the form must be rejected. This check protects against unauthorized or fraudulent distribution requests by requiring additional identity verification for high-risk transactions.
13
Account Owner Name Completeness and Format Validation
Validates that the Party_Name field is populated with the account owner's full name (First, Middle Initial, Last) or the name of a Trust, Estate, or Other Non-Trust Fiduciary, and that it does not contain numeric characters or special symbols inconsistent with a legal name. The name must match the account of record to ensure the distribution is processed for the correct participant. An incomplete or improperly formatted name may result in processing delays or the distribution being applied to the wrong account.
14
Employer Name and Contact Information Completeness
Validates that the Employer_Name field in Section 2 is populated with the full legal name of the plan-sponsoring employer, and that Employer_Address1, Employer_Address3 (City), and the employer phone number (2_emp.phone) are also provided. Employer information is required for plan verification and TPA authorization purposes. If the employer name or contact details are missing, Fidelity cannot verify plan eligibility or contact the plan sponsor to confirm distribution requirements.
15
Withholding Election Consistency for Non-Rollover Distributions
Validates that when a non-rollover distribution (Partial Withdrawal, Full Withdrawal, or SWP) is selected, the withholding election section (Party_RMDWithhold) contains a valid selection — either electing out of federal/state withholding or indicating that a W-4P is enclosed. If the participant is a nonresident alien, this section should not be completed, and the W-8BEN requirement should be flagged instead. An absent or contradictory withholding election may result in incorrect tax withholding, exposing the participant to unexpected tax liabilities or IRS penalties.
16
Roth Asset Rollover Destination Compatibility Check
Validates that if the participant's account includes Roth 403(b) assets and the Party_DRollover_Inc403 field indicates these should be included in a rollover, the selected rollover destination is a compatible account type — specifically a Roth IRA or a Designated Roth Account in an employer plan. Per the form's instructions and the attached Special Tax Notice, Roth assets cannot be rolled into a traditional IRA or non-Roth employer plan. If an incompatible destination is selected for Roth assets, the form must be flagged to prevent an invalid rollover that could result in unintended taxable events.
Common Mistakes in Completing Fidelity Advisor 403(b) Distribution Request
Many participants forget that this form requires an Employer/Plan Sponsor or TPA signature in Section 7 before it can be processed — the only exception being distributions due to attainment of age 59½. This oversight causes the form to be rejected and delays the distribution. Always obtain the required authorization signature and date in Section 7 before mailing, unless you are specifically requesting a distribution under Reason A (age 59½). Tools like Instafill.ai can flag missing required authorizations before submission.
Participants who need a hardship distribution frequently submit this Distribution Request Form instead of the separate Fidelity Advisor 403(b) Financial Hardship Distribution Form. The form explicitly states it cannot be used for hardship withdrawals, so submitting it for that purpose will result in rejection and significant processing delays. Always verify the correct form is being used for your specific distribution reason, and request the Financial Hardship Distribution Form separately if needed.
Fields such as Date of Birth (Party_DOB), Date of Hire (Employer_HireDate), and the Systematic Withdrawal Plan start date require the mm-dd-yyyy format, but people commonly enter dates as mm/dd/yyyy, yyyy-mm-dd, or with only two-digit years. Incorrect date formats can cause processing errors or outright rejection of the form. Always use dashes (not slashes) and include the full four-digit year. AI-powered form filling tools like Instafill.ai automatically format dates correctly to match the required field format.
The Social Security Number (Party_SSN) is a critical identifier, and errors such as transposed digits, missing digits, or entering an ITIN instead of an SSN are common. Since the participant must certify under penalties of perjury that the SSN is correct, an error here can trigger IRS compliance issues and delay or invalidate the distribution. Double-check the SSN against your Social Security card before submitting, and note that nonresident aliens should not complete the withholding election section. Instafill.ai can validate SSN format automatically.
When choosing a direct rollover to a Fidelity Advisor IRA (Option 1A), the form explicitly states the IRA must be established prior to submitting the form. Many participants submit the form before opening the IRA account, causing the rollover to fail or be delayed. Ensure the Fidelity Advisor Traditional or Roth IRA is fully established and that you have the correct IRA account number (Party_RolloveracctNo) to enter on the form before mailing.
The form allows a combination of distribution methods (Direct Rollover, Partial Withdrawal, Full Withdrawal, Periodic Installment Payments), but participants often select options that conflict — such as requesting both a Full Withdrawal and a Partial Withdrawal — or fail to complete all required sub-fields for their chosen option (e.g., leaving the account number blank for a deposit into a Fidelity Advisor Non-Retirement Account). Incomplete or contradictory selections will delay processing. Carefully read each option and complete all associated fields for every method selected.
Many participants are unaware that eligible rollover distributions not directly rolled over to an IRA or another qualifying plan are subject to mandatory 20% federal income tax withholding, and that they cannot elect out of this withholding. This surprises participants who intended to do a 60-day rollover but did not account for the withheld amount, resulting in a shortfall and potential tax liability. Review the Special Tax Notice carefully and consider a direct rollover to avoid mandatory withholding. Consult a tax advisor before choosing your distribution method.
A signature guarantee stamp is required in Section 8 when the distribution amount is $100,000 or more, when the distribution is not sent to the address of record, or when the address has changed within the last 15 days. Participants frequently overlook this requirement or attempt to substitute a notary public stamp, which is explicitly not acceptable. Failure to include a valid signature guarantee from an eligible institution (bank, broker, credit union, etc.) will result in the form being rejected. Confirm whether your distribution meets any of the three triggering conditions before submitting.
The form explicitly instructs nonresident aliens NOT to complete the withholding election section in Section 6. Nonresident aliens are instead subject to 30% withholding and must submit IRS Form W-8BEN to claim treaty benefits. Nonresident aliens who complete the standard withholding election section may have incorrect withholding applied, leading to tax complications. If you are a nonresident alien, skip the withholding election, attach Form W-8BEN, and review IRS Publication 515 for guidance.
When requesting a partial rollover (Option 1) or partial withdrawal (Option 2), participants often leave the fund name, source type (Pretax/Roth/After-Tax), and amount fields blank. The form states that if sources or funds are not specified, the distribution will be taken proportionately from all sources and funds, which may not align with the participant's intent — particularly if they want to preserve certain fund types. Carefully specify the exact fund names, source types, and dollar amounts or percentages for each line item to ensure the distribution is processed as intended.
Option 4 (Systematic Withdrawal Plan) allows payment by Electronic Funds Transfer, but this requires completing and attaching a separate Fidelity Advisor 403(b) Electronic Funds Transfer (EFT) Application. Participants frequently select the EFT payment option without including this required attachment, causing the periodic payment setup to fail or default to check delivery. Always attach the completed EFT Application when selecting this payment method, and note that EFT is only available for Option 4 periodic payments.
The form warns that if you roll over a distribution to an IRA that already contains assets from other sources, you may forfeit the right to roll over the value of that distribution to another employer's plan in the future. Many participants overlook this note and commingle funds without realizing the long-term consequence of losing portability to future employer plans. If preserving the ability to roll assets into a future employer's plan is important, consider keeping the rollover in a separate, dedicated IRA. Review the Special Tax Notice and consult a financial advisor before making this decision.
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